State v. Lowe
Annotate this CaseRobert Lowe was charged with several criminal counts related to Lowe's alleged manufacture of methamphetamine. Lowe moved to certain suppress statements he made to the police. The district court granted the motion, determining that because the statements had been made in response to a promise of leniency they were rendered involuntary. The Supreme Court affirmed, holding (1) the consent that led to the search of the premises was proper and the motion to suppress the physical evidence obtained as a result of the search was properly denied; and (2) when police reinitiated questioning of Lowe after he requested an attorney, they violated his constitutional rights under Miranda, and because there was not sufficient exigency to justify such questioning, the public safety exception to Miranda did not apply under the facts of this case. Therefore, Lowe's statements were properly suppressed.
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